Jonathan Talansky has deep experience in U.S. federal income tax matters, and focuses on real estate private equity funds, public and private REITs, mergers and acquisitions, capital markets, financings and infrastructure projects. Jonathan is one of the nation’s leading authorities and commentators on the “qualified opportunity zone” program and leads the firm's efforts in this area, representing sponsors, investors, founders and developers on all aspects of these rules. Jonathan advises clients on a wide range of tax matters and is a prominent commentator on numerous related topics.
Jonathan counsels clients in M&A transactions, including leveraged buyouts, joint ventures, public company mergers, and leveraged spin-offs. He has also drafted tax receivable agreements entered into in connection with uniquely structured initial public offerings, and has structured numerous cutting-edge Section 1031 exchanges for prominent real estate investors and developers.
Jonathan is a market-facing tax advisor who has broad experience in advising public and private REITs on compliance issues, planning and dispositions. He has advised private equity, infrastructure and real estate opportunity funds in connection with fund formation and structure issues, along with side-letter negotiation and deal execution. He is frequently engaged to implement inbound investment structures for sovereign wealth funds and other non-U.S. investors.
An author and speaker on tax and related topics, Jonathan has been recognized by Super Lawyers as a New York Rising Star in Tax Law for his years of eligibility of 2012–2017. His work on private REITs is published in the Practicing Law Institute’s (PLI’s) The Corporate Tax Practice Series, which is a 31-volume treatise and the definitive resource on corporate tax. He is also a co-author of the leading portfolio on Qualified Opportunity Zones. Jonathan is an active member of the Executive Committee of the New York State Bar Association Tax Section, and co-chairs its Real Estate Sub-Committee.